Audit 353736

FY End
2022-06-30
Total Expended
$924,313
Findings
40
Programs
14
Year: 2022 Accepted: 2025-04-15

Organization Exclusion Status:

Checking exclusion status...

Findings

ID Ref Severity Repeat Requirement
555124 2022-002 Material Weakness Yes F
555125 2022-002 Material Weakness Yes F
555126 2022-003 Material Weakness Yes I
555127 2022-003 Material Weakness Yes I
555128 2022-003 Material Weakness Yes I
555129 2022-003 Material Weakness Yes I
555130 2022-003 Material Weakness Yes I
555131 2022-004 Material Weakness Yes B
555132 2022-004 Material Weakness Yes B
555133 2022-004 Material Weakness Yes B
555134 2022-004 Material Weakness Yes B
555135 2022-004 Material Weakness Yes B
555136 2022-005 Significant Deficiency Yes H
555137 2022-005 Significant Deficiency Yes H
555138 2022-005 Significant Deficiency Yes H
555139 2022-005 Significant Deficiency Yes H
555140 2022-005 Significant Deficiency Yes H
555141 2022-006 Significant Deficiency - N
555142 2022-006 Significant Deficiency - N
555143 2022-006 Significant Deficiency - N
1131566 2022-002 Material Weakness Yes F
1131567 2022-002 Material Weakness Yes F
1131568 2022-003 Material Weakness Yes I
1131569 2022-003 Material Weakness Yes I
1131570 2022-003 Material Weakness Yes I
1131571 2022-003 Material Weakness Yes I
1131572 2022-003 Material Weakness Yes I
1131573 2022-004 Material Weakness Yes B
1131574 2022-004 Material Weakness Yes B
1131575 2022-004 Material Weakness Yes B
1131576 2022-004 Material Weakness Yes B
1131577 2022-004 Material Weakness Yes B
1131578 2022-005 Significant Deficiency Yes H
1131579 2022-005 Significant Deficiency Yes H
1131580 2022-005 Significant Deficiency Yes H
1131581 2022-005 Significant Deficiency Yes H
1131582 2022-005 Significant Deficiency Yes H
1131583 2022-006 Significant Deficiency - N
1131584 2022-006 Significant Deficiency - N
1131585 2022-006 Significant Deficiency - N

Contacts

Name Title Type
HK2GWVHRKD93 Stephanie Wood Auditee
5055653100 Raul Anaya Auditor
No contacts on file

Notes to SEFA

Title: LOANS Accounting Policies: Basis of Accounting The accompanying financial statements have been prepared using the accrual method of accounting. BASIS OF PRESENTATION The accompanying schedule of expenditures of federal awards (the Schedule) includes the federal award activity of Valencia Shelter for Victims of Domestic Violence under programs of the federal government for the year ended June 30, 2022. The information in this Schedule is presented in accordance with the requirements of 2 CFR Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Because the Schedule presents only a selected portion of the operations of Valencia Shelter for Victims of Domestic Violence (VSS), it is not intended to and does not present the financial position, changes in net assets, or cash flows of VSS. De Minimis Rate Used: Y Rate Explanation: VSS has elected to use the 10 percent de minimis indirect cost rate as allowed under the Uniform Guidance. VSS did not expend federal awards related to loans or loan guarantees during the year. In addition, the Organization did not have a loan balance outstanding.
Title: FEDERAL FUNDED INSURANCE Accounting Policies: Basis of Accounting The accompanying financial statements have been prepared using the accrual method of accounting. BASIS OF PRESENTATION The accompanying schedule of expenditures of federal awards (the Schedule) includes the federal award activity of Valencia Shelter for Victims of Domestic Violence under programs of the federal government for the year ended June 30, 2022. The information in this Schedule is presented in accordance with the requirements of 2 CFR Part 200, Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards (Uniform Guidance). Because the Schedule presents only a selected portion of the operations of Valencia Shelter for Victims of Domestic Violence (VSS), it is not intended to and does not present the financial position, changes in net assets, or cash flows of VSS. De Minimis Rate Used: Y Rate Explanation: VSS has elected to use the 10 percent de minimis indirect cost rate as allowed under the Uniform Guidance. VSS has no federally funded insurance.

Finding Details

Type of Finding:  Significant Deficiency in Internal Control over Financial Reporting Condition: During testwork over accrued payroll accounts, CLA noted the year-end adjustments made for accrued payroll and accrued vacation were erroneously calculated. Criteria or specific requirement: Under generally accepted accounting principles, expenses should be accrued the period in which they relate (hours worked in the case of accrued payroll and related liabilities). Effect: Understatement and overstatement of expenses and related liabilities. Cause: The year-end entry was not reviewed for accuracy, resulting in accrued payroll being understated and accrued vacation being overstated. Repeat Finding: See prior year finding 2020-001. Recommendation: CLA recommends management review the accrual entries in detail to ensure accuracy prior to recording. Views of responsible officials and planned corrective actions: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Federal Program Title(s):  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: Per §200.313, Property records must be maintained that include a description of the property, a serial number or other identification number, the source of funding for the property (including the Federal Award Identification Number (FAIN)), who holds title, the acquisition date, and cost of the property, percentage of Federal participation in the project costs for the Federal award under which the property was acquired, the location, use and condition of the property, and any ultimate disposition data including the date of disposal and sale price of the property. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed to meet the federal requirements. Questioned costs: None. While VSS was not in compliance with the requirement for tracking and monitoring the federally procured equipment, there were no unallowed costs on equipment purchases made using federal funds. The material noncompliance relates to the context below, as there are no controls in place to ensure compliance with tracking and monitoring requirements. Context: The below issues were noted for both programs tested:  During our testwork we noted no physical inventory was taken during the fiscal year ended June 30, 2022.  The fixed asset listing does not contain the required information to properly identify purchases with federal funds.  VSS does not currently tag assets purchased with federal monies. As such, due to the limited information present on invoices, we were not able to physically inspect all assets.  -VSS does not have controls in place to track purchases with federal funds on a spreadsheet or similar.  Of the 3 assets tested during 2022, none of the listed asset purchases complied with federal requirements. Cause: Lack of established controls and procedures over allowable costs principals, federal requirements for purchases using federal funds, and tracking of purchases made with federal funds. Effect: Possible noncompliance with federal cost principals and monitoring of assets purchased using federal funds. Repeat Finding: 2021-002 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA and has updated our policies over equipment tracking and purchasing in FY 2023. We have created a tracking system and installed asset tags on all equipment over our capitalization amount. A physical inventory will be conducted at the end of the fiscal year to ensure equipment is accounted for and in use.
Type of Finding:  Significant Deficiency in Internal Control over Financial Reporting Condition: During testwork over accrued payroll accounts, CLA noted the year-end adjustments made for accrued payroll and accrued vacation were erroneously calculated. Criteria or specific requirement: Under generally accepted accounting principles, expenses should be accrued the period in which they relate (hours worked in the case of accrued payroll and related liabilities). Effect: Understatement and overstatement of expenses and related liabilities. Cause: The year-end entry was not reviewed for accuracy, resulting in accrued payroll being understated and accrued vacation being overstated. Repeat Finding: See prior year finding 2020-001. Recommendation: CLA recommends management review the accrual entries in detail to ensure accuracy prior to recording. Views of responsible officials and planned corrective actions: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Federal Program Title(s):  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: Per §200.313, Property records must be maintained that include a description of the property, a serial number or other identification number, the source of funding for the property (including the Federal Award Identification Number (FAIN)), who holds title, the acquisition date, and cost of the property, percentage of Federal participation in the project costs for the Federal award under which the property was acquired, the location, use and condition of the property, and any ultimate disposition data including the date of disposal and sale price of the property. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed to meet the federal requirements. Questioned costs: None. While VSS was not in compliance with the requirement for tracking and monitoring the federally procured equipment, there were no unallowed costs on equipment purchases made using federal funds. The material noncompliance relates to the context below, as there are no controls in place to ensure compliance with tracking and monitoring requirements. Context: The below issues were noted for both programs tested:  During our testwork we noted no physical inventory was taken during the fiscal year ended June 30, 2022.  The fixed asset listing does not contain the required information to properly identify purchases with federal funds.  VSS does not currently tag assets purchased with federal monies. As such, due to the limited information present on invoices, we were not able to physically inspect all assets.  -VSS does not have controls in place to track purchases with federal funds on a spreadsheet or similar.  Of the 3 assets tested during 2022, none of the listed asset purchases complied with federal requirements. Cause: Lack of established controls and procedures over allowable costs principals, federal requirements for purchases using federal funds, and tracking of purchases made with federal funds. Effect: Possible noncompliance with federal cost principals and monitoring of assets purchased using federal funds. Repeat Finding: 2021-002 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA and has updated our policies over equipment tracking and purchasing in FY 2023. We have created a tracking system and installed asset tags on all equipment over our capitalization amount. A physical inventory will be conducted at the end of the fiscal year to ensure equipment is accounted for and in use.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program Federal Agencies:  Department of Housing and Urban Development (ALN 14.267) Pass-Through Agencies: N/A Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for all or part of a structure or structures, the rent paid must be reasonable in relation to rents being charged in the area for comparable space. In addition, the rent paid may not exceed rents currently being charged by the same owner for comparable unassisted space. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for individual housing units, the rent paid must be reasonable in relation to rents being charged for comparable units, taking into account the location, size, type, quality, amenities, facilities, and management services. In addition, the rents may not exceed rents currently being charged for comparable units, and the rent paid may not exceed HUD-determined fair market rents. Condition: During our testing, we noted that VSS internal controls surrounding fair market rent did not comply with the program requirements. Context and Questioned Costs: During our testing over the special provision for fair market rent, we noted that VSS did not have an updated fair market calculation for 1 of the 5 tested participants. Additionally, noted that the number in the household decreased and there was not an assessment of the fair market rent allowable for the household size. Cause: Lack of established controls and procedures over the program’s fair market rent requirements. Effect: Possible noncompliance with federal requirements and HUD program requirements. Repeat Finding: N/A – New Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal and grantor requirements regarding the program requirements. Views of responsible officials: VSS agrees with CLA and has updated our financial policies. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Fair Market Rents will be reviewed along with the HQS worksheet and Income Limits during annual recertification for active participants in the HUD program.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program Federal Agencies:  Department of Housing and Urban Development (ALN 14.267) Pass-Through Agencies: N/A Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for all or part of a structure or structures, the rent paid must be reasonable in relation to rents being charged in the area for comparable space. In addition, the rent paid may not exceed rents currently being charged by the same owner for comparable unassisted space. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for individual housing units, the rent paid must be reasonable in relation to rents being charged for comparable units, taking into account the location, size, type, quality, amenities, facilities, and management services. In addition, the rents may not exceed rents currently being charged for comparable units, and the rent paid may not exceed HUD-determined fair market rents. Condition: During our testing, we noted that VSS internal controls surrounding fair market rent did not comply with the program requirements. Context and Questioned Costs: During our testing over the special provision for fair market rent, we noted that VSS did not have an updated fair market calculation for 1 of the 5 tested participants. Additionally, noted that the number in the household decreased and there was not an assessment of the fair market rent allowable for the household size. Cause: Lack of established controls and procedures over the program’s fair market rent requirements. Effect: Possible noncompliance with federal requirements and HUD program requirements. Repeat Finding: N/A – New Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal and grantor requirements regarding the program requirements. Views of responsible officials: VSS agrees with CLA and has updated our financial policies. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Fair Market Rents will be reviewed along with the HQS worksheet and Income Limits during annual recertification for active participants in the HUD program.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program Federal Agencies:  Department of Housing and Urban Development (ALN 14.267) Pass-Through Agencies: N/A Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for all or part of a structure or structures, the rent paid must be reasonable in relation to rents being charged in the area for comparable space. In addition, the rent paid may not exceed rents currently being charged by the same owner for comparable unassisted space. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for individual housing units, the rent paid must be reasonable in relation to rents being charged for comparable units, taking into account the location, size, type, quality, amenities, facilities, and management services. In addition, the rents may not exceed rents currently being charged for comparable units, and the rent paid may not exceed HUD-determined fair market rents. Condition: During our testing, we noted that VSS internal controls surrounding fair market rent did not comply with the program requirements. Context and Questioned Costs: During our testing over the special provision for fair market rent, we noted that VSS did not have an updated fair market calculation for 1 of the 5 tested participants. Additionally, noted that the number in the household decreased and there was not an assessment of the fair market rent allowable for the household size. Cause: Lack of established controls and procedures over the program’s fair market rent requirements. Effect: Possible noncompliance with federal requirements and HUD program requirements. Repeat Finding: N/A – New Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal and grantor requirements regarding the program requirements. Views of responsible officials: VSS agrees with CLA and has updated our financial policies. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Fair Market Rents will be reviewed along with the HQS worksheet and Income Limits during annual recertification for active participants in the HUD program.
Type of Finding:  Significant Deficiency in Internal Control over Financial Reporting Condition: During testwork over accrued payroll accounts, CLA noted the year-end adjustments made for accrued payroll and accrued vacation were erroneously calculated. Criteria or specific requirement: Under generally accepted accounting principles, expenses should be accrued the period in which they relate (hours worked in the case of accrued payroll and related liabilities). Effect: Understatement and overstatement of expenses and related liabilities. Cause: The year-end entry was not reviewed for accuracy, resulting in accrued payroll being understated and accrued vacation being overstated. Repeat Finding: See prior year finding 2020-001. Recommendation: CLA recommends management review the accrual entries in detail to ensure accuracy prior to recording. Views of responsible officials and planned corrective actions: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Federal Program Title(s):  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: Per §200.313, Property records must be maintained that include a description of the property, a serial number or other identification number, the source of funding for the property (including the Federal Award Identification Number (FAIN)), who holds title, the acquisition date, and cost of the property, percentage of Federal participation in the project costs for the Federal award under which the property was acquired, the location, use and condition of the property, and any ultimate disposition data including the date of disposal and sale price of the property. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed to meet the federal requirements. Questioned costs: None. While VSS was not in compliance with the requirement for tracking and monitoring the federally procured equipment, there were no unallowed costs on equipment purchases made using federal funds. The material noncompliance relates to the context below, as there are no controls in place to ensure compliance with tracking and monitoring requirements. Context: The below issues were noted for both programs tested:  During our testwork we noted no physical inventory was taken during the fiscal year ended June 30, 2022.  The fixed asset listing does not contain the required information to properly identify purchases with federal funds.  VSS does not currently tag assets purchased with federal monies. As such, due to the limited information present on invoices, we were not able to physically inspect all assets.  -VSS does not have controls in place to track purchases with federal funds on a spreadsheet or similar.  Of the 3 assets tested during 2022, none of the listed asset purchases complied with federal requirements. Cause: Lack of established controls and procedures over allowable costs principals, federal requirements for purchases using federal funds, and tracking of purchases made with federal funds. Effect: Possible noncompliance with federal cost principals and monitoring of assets purchased using federal funds. Repeat Finding: 2021-002 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA and has updated our policies over equipment tracking and purchasing in FY 2023. We have created a tracking system and installed asset tags on all equipment over our capitalization amount. A physical inventory will be conducted at the end of the fiscal year to ensure equipment is accounted for and in use.
Type of Finding:  Significant Deficiency in Internal Control over Financial Reporting Condition: During testwork over accrued payroll accounts, CLA noted the year-end adjustments made for accrued payroll and accrued vacation were erroneously calculated. Criteria or specific requirement: Under generally accepted accounting principles, expenses should be accrued the period in which they relate (hours worked in the case of accrued payroll and related liabilities). Effect: Understatement and overstatement of expenses and related liabilities. Cause: The year-end entry was not reviewed for accuracy, resulting in accrued payroll being understated and accrued vacation being overstated. Repeat Finding: See prior year finding 2020-001. Recommendation: CLA recommends management review the accrual entries in detail to ensure accuracy prior to recording. Views of responsible officials and planned corrective actions: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Federal Program Title(s):  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: Per §200.313, Property records must be maintained that include a description of the property, a serial number or other identification number, the source of funding for the property (including the Federal Award Identification Number (FAIN)), who holds title, the acquisition date, and cost of the property, percentage of Federal participation in the project costs for the Federal award under which the property was acquired, the location, use and condition of the property, and any ultimate disposition data including the date of disposal and sale price of the property. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed to meet the federal requirements. Questioned costs: None. While VSS was not in compliance with the requirement for tracking and monitoring the federally procured equipment, there were no unallowed costs on equipment purchases made using federal funds. The material noncompliance relates to the context below, as there are no controls in place to ensure compliance with tracking and monitoring requirements. Context: The below issues were noted for both programs tested:  During our testwork we noted no physical inventory was taken during the fiscal year ended June 30, 2022.  The fixed asset listing does not contain the required information to properly identify purchases with federal funds.  VSS does not currently tag assets purchased with federal monies. As such, due to the limited information present on invoices, we were not able to physically inspect all assets.  -VSS does not have controls in place to track purchases with federal funds on a spreadsheet or similar.  Of the 3 assets tested during 2022, none of the listed asset purchases complied with federal requirements. Cause: Lack of established controls and procedures over allowable costs principals, federal requirements for purchases using federal funds, and tracking of purchases made with federal funds. Effect: Possible noncompliance with federal cost principals and monitoring of assets purchased using federal funds. Repeat Finding: 2021-002 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA and has updated our policies over equipment tracking and purchasing in FY 2023. We have created a tracking system and installed asset tags on all equipment over our capitalization amount. A physical inventory will be conducted at the end of the fiscal year to ensure equipment is accounted for and in use.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance  Material Noncompliance (Modified Opinion) Criteria or specific requirement: 2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Award requires compliance with the provisions of suspension and debarment. VSS should have internal controls designed to ensure compliance with this provision. 2 CFR 200.318-200.321 outline requirements maintain records sufficient to detail the history of procurement, requirements for competition, methods and purchasing thresholds, as well as other requirements for contracting with organizations with using federal funds. VSS’s policies do not meet these requirements. Condition: During our testing, we noted that VSS internal controls and accounting policies were not sufficient in regard to federal requirements for procurements and for ensuring vendors and contractors used are not suspended or debarred. Questioned costs: None. VSS did not enter into any contracts with disallowed parties, and there were no issues with mircopurchases tested. VSS policies and procedures do not contain necessary controls to ensure compliance with the requirements for suspension and debarment or procurements. As such, they were not sufficient to ensure material compliance with this compliance requirement. Context: See Condition. Cause: Lack of established controls and procedures over requirements for procurements and federal principals for suspension and debarment. Effect: Possible noncompliance with federal requirements for procurements using federal monies. Possibility to enter into a covered transaction with a noneligible contractor or vendor. Repeat Finding: 2021-003 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: There is no disagreement with the audit finding. VSS accepts this finding and has contacted an outsourced CPA for review and update of our policies to meet federal cost principals and requirements. These are currently pending approval by the Board of Directors for implementation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Material Weakness in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Condition: During our testing, we noted that VSS internal controls were not sufficient or were not operating as designed in order to document approval of allowable costs principals. Questioned costs: $51.60 (14.267) Context:  14.267 - during our testwork over allowable costs principals we noted 12 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Noted 1 of the 60 tested transactions did not have sufficient documentation to substantiate allowable activity under the grant.  16.575 - during our testwork over allowable costs principals we noted 21 of the 60 tested transactions did not have sufficient documentation of approval of allowability. Cause: Lack of established controls and procedures over allowable costs principals. Effect: Possible noncompliance with federal cost principals or grant requirements. Repeat Finding: 2021-004 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals. Views of responsible officials: VSS agrees with CLA and has updated our financial policies to include electronic approval of expenditures through Bill.com. Timesheets and supplements will be reviewed and approved by staff supervisors biweekly to ensure proper allocation of hours worked. Credit Card Expense reports will require Description of item purchased, as well as the funder and class allocation.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program  ALN 16.575 - Crime Victim Assistance Federal Agencies:  Department of Housing and Urban Development (ALN 14.267)  Department of Justice (ALN 16.575) Pass-Through Agencies:  New Mexico Crime Victims Reparation Commission (ALN 16.575) Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267)  2021-VA-979 (10/1/2020-9/30/2021) (16.575)  2022-VA-180 (10/1/2021-9/30/2022) (16.575) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: Per §200.309 Period of Performance, a non-federal entity may charge to the Federal Award only allowable costs incurred during the period of performance. Condition: During our testing, we noted VSS did not comply with the period of performance requirements. Context and Questioned Costs: During our testwork over period of performance we noted the following:  (14.267) We noted that 8 of the 35 tested transactions were partially outside the period of performance. Total Questioned Costs of $4,851.  (16.575) We noted that 6 of the 14 tested transactions were partially outside the period of performance. Total Questioned Costs of $74. Cause: Lack of established controls and procedures over period of performance requirements. Effect: Possible noncompliance with federal requirements and charging costs to unavailable funds outside the period of performance. Repeat Finding: 2021-005 Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal cost principals and requirements. Views of responsible officials: VSS agrees with CLA in creating internal controls over reviewing year end entries. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program Federal Agencies:  Department of Housing and Urban Development (ALN 14.267) Pass-Through Agencies: N/A Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for all or part of a structure or structures, the rent paid must be reasonable in relation to rents being charged in the area for comparable space. In addition, the rent paid may not exceed rents currently being charged by the same owner for comparable unassisted space. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for individual housing units, the rent paid must be reasonable in relation to rents being charged for comparable units, taking into account the location, size, type, quality, amenities, facilities, and management services. In addition, the rents may not exceed rents currently being charged for comparable units, and the rent paid may not exceed HUD-determined fair market rents. Condition: During our testing, we noted that VSS internal controls surrounding fair market rent did not comply with the program requirements. Context and Questioned Costs: During our testing over the special provision for fair market rent, we noted that VSS did not have an updated fair market calculation for 1 of the 5 tested participants. Additionally, noted that the number in the household decreased and there was not an assessment of the fair market rent allowable for the household size. Cause: Lack of established controls and procedures over the program’s fair market rent requirements. Effect: Possible noncompliance with federal requirements and HUD program requirements. Repeat Finding: N/A – New Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal and grantor requirements regarding the program requirements. Views of responsible officials: VSS agrees with CLA and has updated our financial policies. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Fair Market Rents will be reviewed along with the HQS worksheet and Income Limits during annual recertification for active participants in the HUD program.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program Federal Agencies:  Department of Housing and Urban Development (ALN 14.267) Pass-Through Agencies: N/A Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for all or part of a structure or structures, the rent paid must be reasonable in relation to rents being charged in the area for comparable space. In addition, the rent paid may not exceed rents currently being charged by the same owner for comparable unassisted space. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for individual housing units, the rent paid must be reasonable in relation to rents being charged for comparable units, taking into account the location, size, type, quality, amenities, facilities, and management services. In addition, the rents may not exceed rents currently being charged for comparable units, and the rent paid may not exceed HUD-determined fair market rents. Condition: During our testing, we noted that VSS internal controls surrounding fair market rent did not comply with the program requirements. Context and Questioned Costs: During our testing over the special provision for fair market rent, we noted that VSS did not have an updated fair market calculation for 1 of the 5 tested participants. Additionally, noted that the number in the household decreased and there was not an assessment of the fair market rent allowable for the household size. Cause: Lack of established controls and procedures over the program’s fair market rent requirements. Effect: Possible noncompliance with federal requirements and HUD program requirements. Repeat Finding: N/A – New Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal and grantor requirements regarding the program requirements. Views of responsible officials: VSS agrees with CLA and has updated our financial policies. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Fair Market Rents will be reviewed along with the HQS worksheet and Income Limits during annual recertification for active participants in the HUD program.
Federal Program Title(s):  ALN 14.267 – Continuum of Care Program Federal Agencies:  Department of Housing and Urban Development (ALN 14.267) Pass-Through Agencies: N/A Award Numbers and Periods:  NM0056L6B012001 (7/1/2021-6/30/2022) (14.267)  NM0129D6B011901 (11/1/2020-10/31/2021) (14.267)  NM0129D6B012002 (11/1/2021-10/31/2022) (14.267) Type of Finding:  Significant Deficiency in Internal Control over Compliance Criteria or specific requirement: According to §200.303 Internal controls of 2 CFR Part 200, the nonfederal entity must establish and maintain effective internal control over the Federal award that provides reasonable assurance that the non-Federal entity is managing the Federal award in compliance with Federal statutes, regulations, and the terms and conditions of the Federal award. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for all or part of a structure or structures, the rent paid must be reasonable in relation to rents being charged in the area for comparable space. In addition, the rent paid may not exceed rents currently being charged by the same owner for comparable unassisted space. Per 24 CFR 578.49(b)(1) - When grants are used to pay rent for individual housing units, the rent paid must be reasonable in relation to rents being charged for comparable units, taking into account the location, size, type, quality, amenities, facilities, and management services. In addition, the rents may not exceed rents currently being charged for comparable units, and the rent paid may not exceed HUD-determined fair market rents. Condition: During our testing, we noted that VSS internal controls surrounding fair market rent did not comply with the program requirements. Context and Questioned Costs: During our testing over the special provision for fair market rent, we noted that VSS did not have an updated fair market calculation for 1 of the 5 tested participants. Additionally, noted that the number in the household decreased and there was not an assessment of the fair market rent allowable for the household size. Cause: Lack of established controls and procedures over the program’s fair market rent requirements. Effect: Possible noncompliance with federal requirements and HUD program requirements. Repeat Finding: N/A – New Recommendation: We recommend that VSS reviews the current financial policies and procedures in order to better serve the organization in documenting compliance with federal and grantor requirements regarding the program requirements. Views of responsible officials: VSS agrees with CLA and has updated our financial policies. We have hired an accountant, in addition to our Finance Director and Finance Coordinator to create a system of posting and review. Fair Market Rents will be reviewed along with the HQS worksheet and Income Limits during annual recertification for active participants in the HUD program.